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Answers Fundamentals Level – Skills Module, Paper F6 (UK) Taxation (United Kingdom) (a) (i) December 2011 Answers Philip Wind – Income tax computation 2010–11 £ 9,600 18,600 ––––––– 28,200 (6,990) ––––––– 21,210 ––––––– Pensions Building society interest (14,880 x 100/80) Personal allowance Taxable income Income tax 21,210 at 20% 4,242 ––––––– 4,242 ––––––– Income tax liability (1) Philip’s adjusted net income exceeds £22,900, so his personal allowance of £9,640 is reduced to £6,990 (9,640 – 2,650 (28,200 – 22,900 = 5,300/2)) Tutorial note: The non-savings income exceeds £2,440 (9,600 – 6,990 = 2,610), so the starting rate of 10% is not available (ii) Charles Wind – Income tax computation 2010–11 £ 109,400 (2,175) –––––––– 107,225 –––––––– Trading profit Personal allowance Taxable income Income tax 38,200 at 20% 69,025 (107,225 – 38,200) at 40% –––––––– 107,225 –––––––– Income tax liability 7,640 27,610 –––––––– 35,250 –––––––– (1) Charles’ adjusted net income of £108,600 (109,400 – 800) exceeds £100,000, so his personal allowance of £6,475 is reduced to £2,175 (6,475 – 4,300 (108,600 – 100,000 = 8,600/2)) (2) The basic rate tax band is extended to £38,200 (37,400 + 800) in respect of the gift aid donation (iii) William Wind – Income tax computation 2010–11 £ Employment income Salary Pension contributions 182,700 (7,300) –––––––– 175,400 23,200 6,300 –––––––– 204,900 –––––––– 204,900 –––––––– Car benefit Fuel benefit (18,000 x 35%) Personal allowance Taxable income Income tax 37,400 at 20% 112,600 at 40% 54,900 (204,900 – 150,000) at 50% –––––––– 204,900 –––––––– Income tax liability 7,480 45,040 27,450 –––––––– 79,970 –––––––– (1) The list price of the motor car is restricted to a maximum of £80,000 (2) The relevant percentage for the car benefit is 36% (15% + 21% (235 – 130 = 105/5)), but this is restricted to the maximum of 35% 15 (3) The motor car was available throughout 2010–11 so the benefit is £23,200 (80,000 x 35% = 28,000 – 4,800) Tutorial notes: (1) The fuel benefit is not reduced by the contributions made by William of £3,200 as the full cost of fuel for private journeys has not been reimbursed (2) No personal allowance is available as William’s adjusted net income of £204,900 exceeds £112,950 (b) Philip Wind (1) No national insurance contributions (NIC) are payable Charles Wind (1) Class NIC of £125 (52 x 2·40) will have been paid for 2010–11 (2) Class NIC for 2010–11 will be £3,708 ((43,875 – 5,715 = 38,160 at 8%) + (109,400 – 43,875 = 65,525 at 1%)) William Wind (1) Class NIC £5,586 ((43,875 – 5,715 = 38,160 at 11%) + (182,700 – 43,875 = 138,825 at 1%)) will have been paid for 2010–11 Tutorial note: Pension contributions are ignored, and benefits are not subject to employee Class NIC (c) (i) (1) Charles’ adjusted net income will now be reduced to £100,000 (108,600 – 8,600), so his personal allowance will not be restricted (2) The personal pension scheme contribution will also further extend the basic rate tax band by £8,600 (3) Charles’ income tax liability for 2010–11 would therefore have been by reduced by £3,440 calculated as follows: Personal allowance 4,300 at 40% Basic rate band 8,600 at 20% (40% – 20%) (ii) £ 1,720 1,720 –––––– 3,440 –––––– (1) William and Crown plc should have allocated £4,400 of the contributions towards the fuel for private use, as there will then be no fuel benefit (2) This will reduce the contributions for the use of the motor car by £1,200 (4,400 – 3,200) (3) William’s income tax liability for 2010–11 would therefore have been by reduced by £2,550 (6,300 – 1,200 = 5,100 at 50%) (a) (1) An accounting period will normally start immediately after the end of the preceding accounting period (2) An accounting period will also start when a company commences to trade, or otherwise becomes liable to corporation tax (3) An accounting period will normally finish 12 months after the beginning of the accounting period or at the end of a company’s period of account (4) An accounting period will also finish when a company ceases to trade, when it otherwise ceases being liable to corporation tax, or on the commencement of winding up procedures 16 (b) Starfish Ltd – Trading loss for the period ended 31 March 2011 £ Loss before taxation Depreciation Donation to political party Donation not paid under gift aid Donation paid under gift aid Impairment loss Legal fees – Internet domain name – Misleading advertisement – Issue of loan notes Entertaining customers Entertaining employees Counselling services Capital allowances (working) £ 190,000 25,030 300 600 750 0 2,020 3,600 0 –––––––– 32,300 2,300 –––––––– 192,300 –––––––– (192,300) –––––––– (160,000) –––––––– Trading loss Working – Plant and machinery WDV brought forward Addition Proceeds – Main pool – Motor car Balancing charge Main pool £ 23,600 2,600 ––––––– 26,200 (27,500) Motor car £ 13,200 Allowances £ (9,600) ––––––– 1,300 ––––––– ––––––– (3,600) ––––––– Balancing allowance Total allowances (1,300) 3,600 –––––– 2,300 –––––– (1) Additions are included net of input VAT, so the cost of the laptop is £2,600 (3,120 – 520 (3,120 x 20/120)) (2) Proceeds are included net of output VAT, so the disposals from the main pool are £27,500 (33,000 (31,200 + 1,800) – 5,500 (33,000 x 20/120)) Tutorial notes: (1) The cost of obtaining loan finance, even if abortive, is allowable (2) The only exception to the non-deductibility of entertainment expenditure is when it is in respect of employees (3) The costs of counselling services for redundant employees are allowable (4) The annual investment allowance and writing down allowances are not given for the period in which a trade ceases Therefore the addition is simply added into the main pool (5) Input VAT would not have been recovered in respect of the motor car as it was not used exclusively for business purposes Therefore, output VAT is not due on the disposal 17 (c) Trading profit Loss relief (s.45) Bank interest Loss relief (s.37) Gift aid donations Taxable total profits Period ended 31 March 2007 £ 0 –––– 600 –––– 600 –––– 600 (600) –––– –––– Year ended 31 March 2008 £ 64,200 (12,600) –––––––– 51,600 1,400 –––––––– 53,000 (13,250) –––––––– 39,750 (1,000) –––––––– 38,750 –––––––– Year ended 31 March 2009 £ 53,900 ––––––– 53,900 1,700 ––––––– 55,600 (55,600) ––––––– 0 ––––––– ––––––– Year ended 31 March 2010 £ 14,700 ––––––– 14,700 ––––––– 14,700 (14,700) ––––––– 0 ––––––– ––––––– Period ended 31 December 2010 £ 49,900 ––––––– 49,900 ––––––– 49,900 (49,900) ––––––– 0 ––––––– ––––––– (1) For the year ended 31 March 2008 loss relief is restricted to £13,250 (53,000 x 3/12) Tutorial notes: (1) Starfish Ltd would not have made a loss relief claim against total profits for the period ended 31 March 2007 as this would have wasted the £600 of relieved gift aid donations for that period (2) The trading loss for the period ended 31 March 2011 can be relieved against total profits for the previous 36 months since it is a terminal loss Relief is as follows: £ 160,000 (49,900) (14,700) (55,600) (13,250) ––––––– 26,550 ––––––– Loss Period ended 31 December 2010 Year ended 31 March 2010 Year ended 31 March 2009 Year ended 31 March 2008 Balance unrelieved (d) (i) Starfish Ltd – VAT return for the quarter ended 31 March 2011 £ Output VAT Cash sales revenue (38,520 x 20/120) Credit sales revenue (2,000 x 96% x 20%) Sale of inventory (28,800 x 20/120) Sale of non-current assets £ 6,420 384 4,800 5,500 Input VAT Expenses (69,960 – 4,320 = 65,640 x 20/120) Impairment loss Purchase of non-current asset 10,940 336 520 ––––––– (11,796) ––––––– 5,308 ––––––– VAT payable Tutorial notes: (1) The calculation of output VAT on the credit sales revenue takes into account the discount for prompt payment, even for the 40% of customers that did not take it (2) Input VAT on business entertainment is not recoverable (3) Relief for the impairment loss is available because the claim is made more than six months from the time that payment was due, and the debt has been written off in the company’s books (ii) (1) A sale of a business as a going concern is outside the scope of VAT, and therefore output VAT would not have been due on the sale of the inventory or the sale of the non-current assets (2) Instead of VAT being payable, Starfish Ltd would have been due a refund of £4,992 (5,308 – 4,800 – 5,500) 18 Jorge Jung – Taxable gains computation 2010–11 £ House Disposal proceeds Cost £ 308,000 (98,000) –––––––– 210,000 (188,000) (22,000) –––––––– Principal private residence exemption Letting relief exemption Copyright Disposal proceeds Cost (7,000 x 8/10) 8,200 (5,600) –––––––– 2,600 0 Painting Motor car Land Disposal proceeds Cost 92,000 (20,240) –––––––– 71,760 Ordinary shares in Futuristic Ltd Deemed proceeds Cost 64,800 (26,300) –––––––– 38,500 (24,800) –––––––– Gift relief (38,500 – 13,700) 13,700 –––––––– 88,060 (10,100) –––––––– 77,960 –––––––– Chargeable gains Annual exempt amount Taxable gains (1) The total period of ownership of the house is 210 months, of which 188 months qualify for exemption as follows: Exempt months 16 18 24 11 30 18 18 17 Occupied Travelling overseas Working overseas Occupied Working elsewhere in UK Travelling overseas (36 – 18) Working elsewhere in UK (48 – 30) Occupied Working overseas Final 36 months Chargeable months 10 36 –––– 188 –––– ––– 22 ––– (2) The principal private residence exemption is therefore £188,000 (210,000 x 188/210) (3) The letting relief exemption is £22,000 (210,000 x 22 (210 – 188)/210), being the amount of non-exempt gain attributable to the period of letting This is lower than both £40,000 and the amount of the gain exempt under the principal private residence rules (£188,000) (4) The cost relating to the two acres of land sold is £20,240 (28,600 x 92,000/130,000 (92,000 + 38,000)) (5) The consideration paid for the ordinary shares in Futuristic Ltd exceeds the allowable cost by £13,700 (40,000 – 26,300) This amount is immediately chargeable to CGT Tutorial notes: (1) In calculating the principal private residence exemption periods of absence while working overseas, a maximum of four years absence while working elsewhere in the UK and a maximum of three years absence for any reason are treated as deemed occupation However, the second period working overseas is not a period of deemed occupation as it was not followed by a period of actual occupation (2) The copyright is a wasting asset The cost of £7,000 must therefore be depreciated based on an unexpired life of ten years at the date of acquisition and an unexpired life of eight years at the date of disposal 19 (3) The painting is a non-wasting chattel, but is exempt from CGT because the gross sale proceeds were less than £6,000 (4) Motor cars are exempt from CGT, so the loss of £3,900 (14,600 – 10,700) is not allowable (5) The cost of the land is £28,600 which is the value when Jorge’s father-in-law died Jorge would have taken over this cost when his wife transferred the land to him (6) Jorge and his sister are connected persons, and therefore the market value of the ordinary shares in Futuristic Ltd is used (a) Leticia Stone – Furnished holiday letting loss 2010–11 £ Rent receivable (425 x 22) Loan interest Repairs (12,200 – 10,900) Mileage allowance Other expenses Capital allowances (4,600 x 100%) £ 9,350 12,700 1,300 404 3,770 4,600 ––––––– (22,774) ––––––– (13,424) ––––––– Furnished holiday letting loss (1) The mileage that Leticia drove in respect of the property purchase is capital in nature, and therefore does not qualify Her mileage allowance is therefore £404 (880 + 130 = 1,010 at 40p) Leticia Stone – Property business loss 2010–11 £ Premium received for sub-lease Less: 45,000 x 2% x (5 – 1) Rent receivable – Property (2,160 x x 11/12) – Property (580 x 10) – Security deposit Rent payable (1,360 x 11) Impairment loss Loan interest Other expenses £ 45,000 (3,600) ––––––– 41,400 7,920 5,800 ––––––– 55,120 14,960 580 9,100 36,240 ––––––– (60,880) ––––––– (5,760) (1,670) ––––––– (7,430) ––––––– Furnished room (3,170 – 4,840) Property business loss Tutorial note: Leticia would use the normal basis of assessment in respect of the furnished room since this allows a loss to be generated (b) (1) The furnished holiday letting loss can be relieved against Leticia’s total income for 2010–11 and/or 2009–10 (2) The property business loss, and any furnished holiday letting loss not relieved against total income, will be carried forward and relieved against the first available property business profits (a) (1) The group relief claim by Black Ltd is calculated after deducting brought forward trading losses and gift aid donations (2) The maximum potential claim by Black Ltd is therefore £355,600 (396,800 – 57,900 + 21,100 – 4,400) (3) White Ltd’s gift aid donations of £5,600 cannot be surrendered as they can be fully relieved against the company’s property business profit of £26,700 (4) It is not possible to surrender capital losses as part of a group relief claim (5) Only current year trading losses can be group relieved, so the maximum potential surrender by White Ltd is £351,300 (6) The maximum group relief claim is therefore £351,300 20 (b) Brown Ltd – Corporation tax liability for the year ended 31 March 2011 Trading profits Gift aid donations Taxable total profits Corporation tax at 21% Double taxation relief Total UK £ 212,000 (22,000) –––––––– 190,000 –––––––– 39,900 (39,600) –––––––– 300 –––––––– £ 12,000 (12,000) ––––––– ––––––– ––––––– ––––––– First branch £ 160,000 –––––––– 160,000 –––––––– 33,600 (33,600) –––––––– –––––––– Second branch £ 40,000 (10,000) ––––––– 30,000 ––––––– 6,300 (6,000) ––––––– 300 ––––––– Tutorial notes: (1) The balance of the gift aid donations of £10,000 are deducted from the profits of the second overseas branch since it has paid the lower rate of corporation tax of 15% (6,000/40,000 x 100) The first overseas branch has paid corporation tax at the rate of 30% (48,000/160,000 x 100) (2) The first overseas branch has paid overseas corporation tax of £48,000, but double taxation relief is restricted to the related UK corporation tax of £33,600 (3) The second overseas branch has paid overseas corporation tax of £6,000, and this is lower than the related UK corporation tax of £6,300 (c) Blu Reddy – Inheritance tax computation £ Lifetime transfer 15 January 2011 Value of shares held before the transfer 300,000 x £4 Value of shares held after the transfer 100,000 x £2 1,200,000 (200,000) –––––––––– 1,000,000 168,750 –––––––––– 1,168,750 –––––––––– Net chargeable transfer IHT liability 325,000 at nil% 675,000 x 20/80 Gross chargeable transfer Additional liability arising on death 31 May 2015 Gross chargeable transfer 1,168,750 –––––––––– 337,500 (135,000) –––––––––– 202,500 (168,750) –––––––––– 33,750 –––––––––– IHT liability 325,000 at nil% 843,750 at 40% Taper relief reduction – 40% IHT already paid Additional liability 21 Fundamentals Level – Skills Module, Paper F6 (UK) Taxation (United Kingdom) December 2011 Marking Scheme Marks (a) (i) Philip Wind Pensions Building society interest Personal allowance Income tax ½ ½ ––– (ii) Charles Wind Trading profit Personal allowance Extension of basic rate band Income tax ½ ½ ––– (iii) William Wind Salary Pension contributions Car benefit – List price – Relevant percentage – Contribution – Calculation Fuel benefit Personal allowance Income tax ½ ½ ½ ½ 1 ––– (b) Philip Wind No NIC Charles Wind Class NIC Class NIC William Wind Class NIC ½ ½ 1½ 1½ ––– (c) (i) Charles Wind Personal allowance Basic rate band Income tax liability 1 ––– (ii) William Wind Allocation Contributions for use of motor car Income tax liability 1 ––– ––– 25 ––– 23 (a) Marks 2 ––– When an accounting period starts When an accounting period finishes (b) Depreciation Donations Impairment loss Legal fees Entertaining customers Entertaining employees Counselling services P & M – WDV brought forward – Addition – Main pool proceeds – Motor car proceeds – Balancing adjustments ½ 1½ 1½ ½ ½ ½ 1½ ½ ––– 12 (c) Trading profit Relief for 2007 loss – – Bank interest Relief for 2011 loss – – Gift aid donations ½ ½ ½ ½ 1 ––– Period ended 31 March 2007 Carry forward Year ended 31 March 2008 Other periods (d) (i) Output VAT – Cash sales revenue – Credit sales revenue – Inventory – Sale of non-current assets Input VAT – Expenses – Impairment loss – Purchase of non-current asset 1½ 1½ ½ 1 ½ ––– (ii) Output VAT not due VAT refund 1 ––– ––– 30 ––– House – Proceeds – Cost – Period of exemption – Principal private residence exemption – Letting relief exemption Copyright – Proceeds – Cost Painting Motor car Land – Proceeds – Relevant cost – Apportionment of cost Ordinary shares – Deemed proceeds – Cost – Gift relief Annual exempt amount ½ ½ 1 ½ 1½ ½ ½ ½ 1 ½ 1½ ½ ––– 15 ––– 24 Marks (a) Furnished holiday letting loss Rent receivable Loan interest Repairs Mileage allowance Other expenses Capital allowances Business property loss Lease premium received Rent receivable – Property – Property – Security deposit Rent payable Impairment loss Loan interest Other expenses Furnished room ½ 1 1½ ½ 1 1 ½ 1 ½ ½ ––– 13 (b) Furnished holiday letting loss Property business loss 1 ––– ––– 15 ––– (a) Maximum potential claim Gift aid donations Capital losses Maximum potential surrender Maximum claim ½ ½ ––– (b) Trading profits Gift aid donations Corporation tax Double taxation relief ½ 1½ ½ 1½ ––– (c) Lifetime transfer Value transferred IHT liability Additional liability arising on death Gross chargeable transfer IHT liability Taper relief IHT already paid 1½ ½ ½ ½ ––– ––– 15 ––– 25 ...Fundamentals Level – Skills Module, Paper F6 (UK) Taxation (United Kingdom) (a) (i) December 2011 Answers Philip Wind – Income tax computation 2010–11 £ 9,600 18,600... already paid Additional liability 21 Fundamentals Level – Skills Module, Paper F6 (UK) Taxation (United Kingdom) December 2011 Marking Scheme Marks (a) (i) Philip Wind Pensions Building society interest... double taxation relief is restricted to the related UK corporation tax of £33,600 (3) The second overseas branch has paid overseas corporation tax of £6,000, and this is lower than the related UK